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  1. Point in time
    2008-12-11

CRED 11.2 Financial promotion

CRED 11.2.1G

Financial promotion is defined as an invitation or inducement to engage in investment activity.1

CRED 11.2.2G

Financial promotions can be real time or non-real time. A real time financial promotion is communicated in the course of a personal visit, telephone conversation or interactive dialogue. A non-real time financial promotion is not a real time financial promotion. It includes a financial promotion made by letter, e-mail or contained in a newspaper, journal, magazine, other periodical publication, website, television or radio programme or teletext service.

CRED 11.2.4G

In addition to the limited application ofthe financial promotion rules2, a number of exemptions within the defined term excluded communication are relevant. In particular, paragraphs (a) and (e) of the definition provide further limitations on the application of the financial promotion rules in relation to credit unions2:

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  1. (1)

    Exemption (a2): A financial promotion that would benefit from an exemption in the Financial Promotion Order if it were communicated by an unauthorised person, or which originates outside the United Kingdom and is not capable of having an effect in the United Kingdom.2

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  2. (2)

    Exemption (e2): A "one off" financial promotion that is not a cold call2. If the conditions set out in (a) to (c) are satisfied, a financial promotion is to be regarded as "one off"; if not, the fact that any one or more of these conditions is met is to be taken into account in determining if a financial promotion is "one off", but a financial promotion may be regarded as "one off" even if none of the conditions are met; the conditions are that:

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    1. (a)

      the financial promotion is communicated only to one recipient or only to one group of recipients in the expectation that they would engage in any investment activity jointly;

    2. (b)

      the identity of the product or service to which the financial promotion relates has been determined having regard to the particular circumstances of the recipient;

    3. (c)

      the financial promotion is not part of an organised marketing campaign.

  3. (3)

    [deleted]2

    2
CRED 11.2.5G

Despite the limited application of COBS 2to deposits and the exemptions mentioned in CRED 11.2.4 G, financial promotions (including those which are exempt) may be subject to more general rules including Principle 7 (Communications with clients) and 2SYSC 3 (Systems and controls) and the fair, clear and not misleading rule2.

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CRED 11.2.6G

The requirement on a firm under COBS 4.2.1 R (1) 2 is that it must 2ensure that a financial promotion is fair, 2clear and not misleading. This is supported by further detailed rules including COBS 4.5.2 R2:

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  1. (1)

    A firm must ensure that information for a retail client:2

    2
    1. (a)

      includes the name of the firm;

    2. (b)

      is accurate and in particular does not emphasise any potential benefits of relevant business or a relevant investment without also giving a fair and prominent indication of any relevant risks;

    3. (c)

      is sufficient for, and presented in a way that is likely to be understood by, the average member of the group to whom it is directed, or by whom it is likely to be received; and

    4. (d)

      does not disguise, diminish or obscure important items, statements or warnings.

  2. (2)

    [deleted]2